The CFPB is expected to issue a Notice of Proposed Rulemaking at the end of July which market participants hope will also reduce ambiguity around TRID. For questions about the TRID documentation and SFIG’s engagement with the CFPB, please contact Daniel.Goodwin@sfindustry.org. To join any of SFIG’s RMBS Due Diligence, Data and Disclosure Working Group and contribute to this work, please contact Marshall.Bornemann@sfindustry.org.